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Broadband Access and Public Health: Legal and Policy Opportunities for Achieving Equitable AccessSeptember 3, 2020 | 1:00 – 2:30 PM ET
Co-sponsored by:
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Moderator
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Betsy Lawton, Senior Staff Attorney, Network for Public Health Law—Northern Region Office J.D., University of Wisconsin Law School
Presenter
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Loris Taylor, President/CEO, Native Public Media Inc.
Presenter
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Edyael Casaperalta, Project Manager, AMERIND Critical Infrastructure J.D., University of Colorado Boulder M.A., Ohio University
Presenter
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Mathew Swinburne, Associate Director, the Network for Public Health Law – Eastern Region Office J.D., University of Maryland Francis King Carey
School of Law
Broadband Access and Health EquitySeptember 3, 2020
What is Broadband and Why is it Important?
» Super-determinant of Health, impacting all social determinants of health
Education Economic Stability Neighborhood and Built Environment Health and Healthcare Social and Community Context
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Today, broadband is essential to participate in society. Disconnected consumers, which are disproportionately low-income consumers, are at an increasing disadvantage as institutions and schools,
and even government agencies, require Internet access for full participation in key facets of society. . . .
[S]tudent access to the internet has become a necessity, not a luxury.”30 FCC Rcd 7818, ¶¶ 4–5 (2015)
“Every American should have affordable access to robust broadband service and the means and skills to subscribe if they so choose.”
FCC’s 2010 Connecting America: The National Broadband Plan.
» Digital Divide:• Barriers: Access and Adoption• Measuring the Divide: Need for more accurate data, 2020 FCC Adoption Rates: 70% urban, 60% rural, 44% Tribal lands Disparities Are Significant: Adoption rates in Black neighborhoods (67%) lower than white Neighborhoods (84%) 16.9 million children lack home broadband, including over 30% of Black, Latino and Native American households with
school-aged children. Alliance for Excellent Education, 2020.
Pre-pandemic 21% of Black students relied on public Wi-Fi to complete homework
» COVID- 19 Pandemic:• Increased need for telehealth and educational access• Fewer opportunities to utilize broadband at libraries and school buildings• Economic consequences threaten household ability to continue to pay for service.
» Drastic expansion of inequities related to the social determinants of health9
Federal COVID-19 Relief Efforts» Keep America Connected Pledge
• Voluntary commitments to waive late fees, not terminate service, open Wi-Fi hotspots
• Expired on June 30, 2020• Chairman Pai has urged Congressional action
» CARES Act• $13 billion for education agencies to purchase technology, including connectivity to support remote learning• $3 billion in emergency education relief for states to improve remote learning• $200 million to expand telehealth access• $50 million to the Institute for Museum and Library Service to expand digital network access
» Universal Service Fund Programs• E-rate: waived gift rules and urged providers to provide mobile hotspots and broadband enabled devices
⁕ FCC has not authorized the use of E-rate funds to provide broadband service directly to students that lack broadband at home
• Lifeline: eased application requirements for newly eligible households• Connected Care Pilot Program
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Broadband Access and Public Health: Legal and Policy Opportunities for Achieving Equitable Access
Native Broadcast Network
KUYI Hopi Radio
59 Radio Stations
3 Television Stations
19 States
High Quality Data Matters
Service to High Cost Areas Matter
Technological Advancements
Matter
Internet Speed Matters
Broadband for Public Health is Critical
Spectrum for Indian Country
Moving the DialHelp the least connected acquire affordable high-speed broadband.
Don’t discriminate against communities because of geography or rural nature of homelands.
Restore Net Neutrality.
Acknowledge that a one-size-fits all business model is not the right approach for Indian Country.
Dedicated funding & spectrum for Broadband across Indian Country.
Broadband must be universal and ubiquitous to close the digital divide in Indian Country.
AsqualiThank you
AMERIND Critical Infrastructure:Tribes Connecting Tribes
Edyael Casaperalta Project Manager, ACI
Broadband in the Community
Broadband Access in Indian Country• 2020 Broadband Deployment Report, FCC (April 2020)
o Overall: 94.4% of population had access to 25/3 by end of 2018o Rural: 22.3% of ppl in rural areas do not have access to 25/3o Tribal: 27.7% of ppl in tribal lands do not have access to 25/3o Urban: 1.5% of ppl in urban areas do not have access to 25/3
• Tribal Technology Assessment, American Indian Policy Institute, ASU (2019)o Device used to access the internet
o 38% use smartphone o 22% use desktop or laptop o 12% use tableto 27% use all 3
o Phone connectivity at homeo 69% all the timeo 22% some of the timeo 9% none
o Top 3 locations to access the interneto 31% wherever they get cell-
receptiono 27% public WiFi while patronizing a
businesso 15% while at a friend or relative’s
house
$571M
Federal Communications Commission
The Universal Service Fund – Annual Budgets
$2.25B $4.5B $4.15B
Rural Health Care Program• Established in 1997• Funding for telecommunications and broadband services to
eligible, nonprofit or public, rural, health care providers:1) post-secondary educational institutions offering health care instruction,
teaching hospitals, and medical schools; 2) community health centers or health centers providing health care to
migrants; 3) local health departments or agencies; 4) community mental health centers; 5) not-for-profit hospitals; 6) rural health clinics; 7) skilled nursing facilities (as defined in section 395i–3(a) of title 42; and8) consortium of health care providers consisting of one or more entities
falling into the first seven categories• Capped at $571 Million annually
COVID-19 Telehealth Program
• Response to the pandemic, CARES Act• $200 Million• To help eligible health care providers provide telehealth
services to patients at their homes or mobile locations in response to the COVID-19 pandemic
• Nonprofit and public health care providers only• Same eligible entities as Rural Health Care Program, but
nonrural entities eligible• Opened April 13, stopped receiving applications on June 25
2.5 GHz Tribal Priority Window• Once-in-a-generation opportunity for Tribes to obtain spectrum
licenses• Available to federally recognized Tribes, Alaska Native Villages, and
Hawaiian Home Lands in rural areas• 2.5 GHz spectrum is capable of providing high-speed wireless
broadband service• Puts Tribes in control of the provision of service• Provides Tribes with a valuable economic asset• Open February 3, 2020 – August 3, 2020• Tribal advocates requested an extension ranging from 6 months to a
year because tribal governments and entities closed their offices to respond to the COVID-19 pandemic. FCC granted only a 30-day extension. Closed September 2, 2020.
Rural Digital Opportunity Fund• $20.4 Billion for broadband deployment• Reverse auction model• Participants able to bid only in eligible areas – “census blocks
where no provider is offering, or has committed to offer…service of at least 25/3 Mbps, based on Form 477 data.”
• Eligible Telecommunications Carriers (ETC) or entities able to become an ETC after receiving a funding award
• Phase I bidding ($16 Billion) - October 29, 2020• Phase II, TBD
Questions?
Edyael CasaperaltaProject Manager, AMERIND Critical Infrastructure
Mathew Swinburne, J.D.Associate Director
The Network for Public Health Law-Eastern Region9/3/2020
Municipal Broadband: Local Efforts to Support a Super
Determinant of Health
Telecommunications Act of 1996
“Determine whether advanced telecommunications capability is being deployed to all Americans in a reasonable and timely fashion”And if it is not “take immediate action to accelerate
deployment of such capacity by removing barriers to infrastructure investment and by promoting competition….”
FCC Chairman Ajit Pai
FCC’s 2020 Broadband Deployment ReportBroadband Access—there is a high-speed internet provider in the community (infrastructure)
Broadband Adoption—actual subscription to the high-speed internet services (affordability)94.4% of Americans have access to
Fixed Terrestrial Broadband (25/3 Mbps)
98.5% in Urban Areas
77.7% in Rural Areas
72.3% Tribal Lands
52.9% in Rural Tribal Lands
65.1% of Americans have Adopted Fixed Terrestrial Broadband (25/3 Mbps) 69.2% in Urban Areas
59.9% in non-Urban Areas
44.0% in Tribal Lands
38.7% in non-urban Tribal lands
Broadband Access: UndercountedFederal Communications Commission Report• 18.3 million Americans lack access to fixed terrestrial
broadband.• Form 477: If an ISP offers service to at least one household in
a census block, then the FCC counts the entire census block as covered by that provider.
• Broadband Now estimates that 42 million Americans lacked accessBroadband DATA Act 2020
• gather more granular data, • create a process for public to challenge the data, • create a process for crowd sourcing of data, • create coverage maps with the new data to inform the awarding of broadband funding,. . . .
Why are There Disparities in AccessThe cost of installing the infrastructure for broadband services is often not profitable in isolated or low-income communities. The private companies fear they cannot recoup their investment when a community has a small customer base due to population or economic means.
Municipal Broadband Public entities entering commercial
telecommunications marketplace and providing highspeed internet services.
331 municipal broadband networks in the United States
3 Basic Models
• Public Ownership-principal entity for building, financing and operating the broadband network
• Public Private Partnerships-many forms
• Cooperative Model--rural electric and telephone cooperatives transition over to provision of broadband service
Arguments For Municipal Broadband Provides broadband access in areas that are underserved or unserved by private sector providers. Can provide comparable or better speeds at potentially lower costs. Provides competition in markets where there is only one provider or limited number of providers. (45% single provider-2016) Increases investment in local communities and boosts regional and local economies. Follows the tradition of municipal-based utilities, which provide basic utilities such as water, natural gas and electricity to customers.
Arguments Against Municipal Broadband
Unfair Competition- government has inherent advantages, like rights of way and public financing, which significantly reduce the costs associated with entry into broadband markets. Taxpayer Risk--high-risk endeavor, and if the network fails, taxpayers could be on hook for financial liability. Limited Funds and Competing Interests--Public funds used for broadband are taken away from other priorities, including roads, electric grid updates, and water systems. Discourages private sector investment.
19 States Restrict the Deployment of Municipal Broadband Services
Missouri- A Complete Ban
Bars municipalities and municipal electric utilities from providing retail or wholesale telecommunication services.
Have an exception that allows for the provision of internal government service.
Michigan
Requires a public entity to request bids for services.
If receive less than three bids, they can provide municipal broadband but only within its boundaries.
Must subject themselves to the same terms and conditions as the RFP.
Pennsylvania
Municipalities cannot provide broadband unless the service is not provided by local telephone provider and this provider refuses to provide services within 14 months of a request for service.
Data speed is the only element considered when determining if service is provided. Cannot consider cost, quality of service, coverage,…
Michigan & Pennsylvania-Request Private Bids
Imposes “ad valorem” taxes on municipal broadband networks that are not required of other public utilities or services sold to the public. Require municipalities to hold at least two public hearings, during which local officials must offer a roadmap to profitability within four years If a municipality-owned broadband utility is not profitable after four years, it must hold a public hearing on whether to continue services.
Florida- Taxes and Profitability Requirements
Cannot use tax revenue to cover capital costs and expenditures for the operating expenses associated with providing broadband.Also prohibited from using appropriations of state, county, or municipal government.
Alabama-Limitations on Funding Sources
Virginia allows municipal electric utilities to provide broadband.Requires them to impute private sector costs into their rates (Phantom Costs).Prohibits them from charging rates lower than the incumbent service providers.
Virginia: Imputed Costs and Price Fixing
File a detailed business plan with the office of the comptroller of the treasury
After public hearing on plan to provide service, the municipal legislature must approve with 2/3 vote or a public referendum.
Municipalities that operate their own electric utilities can provide broadband services within their electric service areas.
Municipalities that do no operate an electric utility can only provide broadband service in “historically underserved areas” and are required to partner with a private sector provider.
Tennessee: Procedural and Service Area Restrictions
Federal Preemption of State Laws Wilson Count, NC and Chattanooga, TN
developed successful broadband networks and surrounding communities asked for their services.
TN and NC had laws that prevent municipal broadband from expanding their service areas.
House of Representatives passed a measure to freeze the FCC's funding if it overturned the state prohibitions.
FCC issues an order blocking states from enforcing these laws (2015).
Federal Preemption-where the federal government has authority it can supersede state law.
State of TN, et al. v. FCC (6th Cir.)(2016) The Commission . . . shall encourage the deployment on a
reasonable and timely basis of advanced telecommunications capability to all Americans. . . by utilizing, . . . , measures that promote competition in the local telecommunications market, or other regulating methods that remove barriers to infrastructure investment. Telecommunications Act of 1996, § 706 (47 USC § 1302)
Did this grant the FCC the authority to preempt the municipal broadband restrictions?
State have the right to set the boundaries of telecommunications policy for their municipalities, unless Congress has provided a clear statement to the contrary. Court held that Telecommunications Act did not provide that clear statement of authority. Nixon vs Missouri Municipal League (2004) Municipalities were challenging MO
complete ban of municipal broadband and wanted FCC to preempt this complete ban.
FCC did not want to preempt and stated that they lacked a clear statement from congress to do so.
Court Decision-FCC Loses
Mathew SwinburneAssociate Director
The Network for Public Health Law
[email protected] or [email protected]
Thank you for your time.
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2020 Public Health Law Virtual SummitCOVID-19 Response and RecoverySeptember 16 – 17, 2020networkforphl.org/summit
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